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Greenhouse Gas Reporting Program

Results of GHG Reporting Rule Applicability

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Yes, the facility is subject to the reporting rule, based on the information you have provided.

Facility
Not provided
Not provided
Not provided
Date of This Assessment
Year of Emissions
Not provided
Relevant Subparts

If subject to the rule, you must collect data; calculate GHGs; and follow the procedures for quality assurance, missing data, recordkeeping, and reporting that are specified in the 40 CFR part 98 subparts listed below based on your selections:

Notice

A facility that is subject to part 98 only because of subpart UU is not required to report emissions under subpart C or any other subpart listed in 98.2(a)(1) or (a)(2). Thus, based on the information you provided, you are not required to report on source categories for which emissions did not reach the 25,000 metric tons CO2e or more per year threshold in your assessment, as shown below along with related subparts.

Facility's Annual CO2e Emissions

Selected Source Categories for Facility CO2e Emissions
(metric tons/year)
Stationary Fuel Combustion Sources
Electricity Generation
Electronics Manufacturing
Ferroalloy Production
Fluorinated Gas Production
Glass Production
Hydrogen Production
Industrial Waste Landfills
Industrial Wastewater Treatment
Iron and Steel Production
Lead Production
Liquefied Natural Gas Import and Export Equipment
Liquefied Natural Gas Storage
Magnesium Production
Miscellaneous Uses of Carbonate
Natural Gas Distribution
Offshore Petroleum and Natural Gas Production
Onshore Natural Gas Processing
Onshore Natural Gas Transmission Compression
Onshore Petroleum and Natural Gas Production
Pulp and Paper Manufacturing
Underground Natural Gas Storage
Zinc Production
Related Subparts

If emissions from source categories in your assessment reached the threshold of 25,000 metric tons CO2e or more per year, you would be required to also report on those sources as specified in the 40 CFR part 98 subparts listed below:

Notice: You may be required to report as a supplier of petroleum products. See EPA guidance (PDF) (4 pp., 62 K)).

Notice: Your facility may be required to report under Importers and Exporters of Fluorinated Greenhouse Gases Contained in Pre-charged Equipment or Closed-cell Foams. See EPA guidance (PDF) (2 p., 37 K).

Notice: Your facility may be required to report as a Supplier of Industrial Greenhouse Gases. See EPA guidance (PDF) (4 p., 80 K).

Notice: Your facility may be required to report as a Supplier of Carbon Dioxide. See EPA guidance (PDF) (2 p., 53 K).

Notice: Your facility may be required to report as a Supplier of Carbon Dioxide. See EPA guidance (PDF) (2 p., 53 K).

Notice: Notice: Your facility may be required to report under Subpart NN- Suppliers of Natural Gas and Natural Gas Liquids. See EPA guidance (PDF) (3 p., 61 K).

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Applicability Tool Disclaimer

The content provided in the applicability tool is intended solely as compliance assistance for potential reporters to aid in assessing whether they are required to report under the Greenhouse Gas Mandatory Reporting Rule. Any variation between the rule and the information provided in this tool is unintentional, and, in the case of such variations, the requirements of the rule govern.

The applicability tool and its contents do not constitute rulemaking or a decision by EPA and may not be relied upon to create a substantive or procedural right or benefit enforceable by law, or in equity, by any person. While this tool is designed to help potential reporters comply with the rule, compliance with all Federal, State, and Local laws and regulations remains the sole responsibility of each facility owner or operator subject to those laws and regulations. Use of this tool does not constitute an assessment by EPA of the applicability of the rule to any particular facility. In any particular case, EPA will make its assessment by applying the law and regulations to the specific facts of the case.

No information entered by the user is maintained by EPA, and any results generated by the applicability tool, along with additional information entered by the user, do not constitute a submission for purposes of compliance with the rule.

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